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FDA Perspective on Nanomaterial-Containing Products

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Title: FDA Perspective on Nanomaterial-Containing Products


1
FDA Perspective on Nanomaterial-Containing
Products
  • Nakissa Sadrieh, Ph.D.
  • Office of Pharmaceutical Science
  • Center for Drug Evaluation and Research
  • Food and Drug Administration
  • Nanobusiness Conference, May 2005

2
FDA Mission
  • The FDA is responsible for protecting the public
    health by assuring the safety, efficacy, and
    security of human and veterinary drugs,
    biological products, medical devices, our
    nations food supply, cosmetics, and products
    that emit radiation. The FDA is also responsible
    for advancing the public health by helping to
    speed innovations that make medicines and foods
    more effective, safer, and more affordable and
    helping the public get the accurate,
    science-based information they need to use
    medicines and foods to improve their health.

3
FDA Organization
  • Agency within the Department of Health and Human
    Services.
  • Consists of 8 Centers/Offices
  • Center for Biologics Evaluation and Research
    (CBER)
  • Center for Devices and Radiological Health (CDRH)
  • Center for Drug Evaluation and Research (CDER)
  • Center for Food Safety and Applied Nutrition
    (CFSAN)
  • Center for Veterinary Medicine (CVM)
  • National Center for Toxicological Research (NCTR)
  • Office of the Commissioner (OC)
  • Office of Regulatory Affairs (ORA)

4
FDA REGULATED PRODUCTS
  • Animal Feeds
  • Pharmaceuticals
  • Human
  • Animal
  • Tamper resistant packaging
  • Medical devices
  • Radiation emitting electronic products
  • Vaccines
  • Blood products
  • Tissues
  • Sterilants
  • Counter-terrorism products
  • Foods
  • All interstate domestic and imported, including
    produce, fish, shellfish, shell eggs, milk (not
    meat or poultry)
  • Bottled water
  • Wine (lt7 alcohol)
  • Infant formula
  • Food additives
  • Colors
  • Food containers
  • Cosmetics
  • Dietary Supplements

5
FDA Regulates Products on a Product-by-Product
Basis
  • Pre-market approval
  • For products that require an FDA approval prior
    to introduction to the market.
  • Market clearance
  • For products that are similar to products that
    were cleared to market previously, or are
    prepared to approved specifications. FDA review
    process for these products is more rapid than for
    pre-market approval.
  • Post-market review
  • For these products, market entry and distribution
    are at the discretion of the manufacturer and FDA
    monitors the behavior of these products.
    Regulatory action is taken if adverse events
    occur.

6
Current Trends in Drug Discovery
  • At a time when basic biomedical knowledge is
    increasing, the gap between bench discovery and
    bedside application appears to be expanding.
  • Current medical product development path is
    increasingly challenging, inefficient and costly.
  • There is a crisis in moving basic discoveries to
    the market and ultimately to patients.
  • Recent analysis of the pipeline problem was
    conducted by FDA and resulted in the publication
    of the Critical Path Initiative (March 2004)
    (http//www.fda.gov/initiatives/criticalpath/)

7
FDAs Critical Path Initiative
  • Initiative to help reduce existing hurdles in
    medical product design and development.
  • Initiative rooted in taking advantage of
    innovative science and technologies to reach
    commercialization of medical products.
  • 3 crucial scientific/technical dimensions on the
    critical path from scientific discovery to
    commercial product have been identified
    assessing safety, demonstrating medical utility
    and industrialization.
  • Nanotechnology is an element under evaluation in
    FDAs Critical Path Initiative.

8
FDA Activities in Nanotechnology
  • Office of Science and Health Coordination (within
    OC) coordinates regular discussions within
    Agency.
  • Individual Centers have regular discussion groups
    within each Center.
  • Purpose of these meetings is to insure awareness
    of policies that may be developing within the
    Agency and to educate staff and policy makers on
    scientific progress in nanotechnology.
  • Interagency Oncology Task Force, Nanotechnology
    subcommittee, featuring collaboration between
    FDA-NCI-NIST

9
Coordination of Policy on Nanomaterials with
Other Agencies
  • FDA is a member of the Nanoscale Science and
    Engineering Technology (NSET) Subcommittee of the
    National Science and Technology Council (NSTC)
    Committee on Technology.
  • FDA co-chairs with NIOSH the NSET Working Group
    on Nanomaterials Environmental and Health
    Implications (NEHI) to define new test methods to
    assess safety of these products.
  • FDA contributes to the evaluation of the toxicity
    of materials supported by NIEHS and NTP.

10
Current FDA Definition of Nanotechnology
  • FDA calls it "nanotechnology" only if it involves
    all of the following
  • 1. Research and technology development, or
    products regulated by FDA, that are at the
    atomic, molecular or macromolecular levels, and
    where at least one dimension, that affects the
    functional behavior of the product, is in the
    length scale range of approximately 1-100
    nanometers.
  • 2. Creating and using structures, devices and
    systems that have novel properties and functions
    because of their small and/or intermediate size.
  • 3. Ability to control or manipulate at the atomic
    scale.

11
Historically
  • FDA has approved many products with particulate
    materials in the nanosize range.
  • Most drugs are expected to go through a nanosize
    phase during the process of absorption in the
    body.
  • There have been no safety concerns reported in
    the past because of particle size.

12
Applications of Nanoparticles to Drug Discovery
and Biology
  • Fluorescent biological markers
  • Detection of proteins
  • Probing of DNA structures
  • Separation and purification of biological
    molecules and cells
  • MRI contrast enhancement
  • Tumor destruction via heating
  • Tissue engineering
  • Drug and gene delivery (Nanomarkets, March 2005)

13
Trends in Development of Nanoparticles in Medicine
  • Currently, nanoparticle applications in medicine
    are geared towards drug discovery and drug
    delivery (Quantum Dots, gold nanoparticles,
    Nanoshells for Raman spectroscopy, Nanobarcode
    particles).
  • In the future, the goal is to make the
    nanoparticles multifunctional and controllable by
    external signals or local environments
    (nano-devices?) (Nanomarkets, March 2005)

14
Possible Opportunities for Nanotechnology in Drug
Delivery
  • Enhanced drug properties such as
  • Solubility
  • Rate of dissolution
  • Oral bioavailability
  • Targeting ability
  • Enhanced dosing requirements
  • Lower dosed administered
  • Better side effect profile
  • More convenient dosage forms

15
FDA-Regulated Products Expected to be Impacted by
Nanotechnology
  • Drugs (novel NMEs or delivery systems)
  • Medical devices
  • Biotechnology products
  • Tissue engineering products
  • Vaccines
  • Cosmetics
  • Combination products

16
What are Combination Products?
  • Combination products are made of multiple
    constituents drug-device, drug-biologic,
    device-biologic or drug-device-biologic that are
    physically or chemically combined, co-packaged in
    a kit or separate cross-labeled products.
  • All components work as a system and are critical
    to achieve desired therapeutic effect.

17
Who Regulates Combination Products?
  • Office of Combination Products (established in
    2002 under Medical Device User Fee and
    Modernization Act).
  • Jurisdiction for regulatory responsibility
    assigned to a lead Center, based on the primary
    mode of action (most important therapeutic
    action) of the combination product (proposed rule
    defining PMOA published in Federal Register on
    May 7th, 2004).
  • www.FDA.gov/oc/combination

18
Examples of Nanotechnology Combination Product
  • Multi-component system that may consist of
  • Carrier/delivery system (drug or device)
  • Therapeutic agent (drug or biologic)
  • Imaging agent
  • Targeting agent
  • Implantable microchip-based delivery systems that
    deliver different drugs under controlled
    conditions.
  • Injectable delivery systems (transdermal
    microneedles). (Nanomarkets, March 2005)

19
General Concerns about Nanotechnology Products
  • Examples of concerns regarding
  • Safety
  • Quality of material/characterization
  • Environmental

20
Safety Concerns
  • As particle size gets smaller, there may be
    size-specific effects on activity, such as
  • Will nanoparticles gain access to tissues and
    cells that normally would be bypassed by larger
    particles?
  • Once nanoparticles enter tissues, how long do
    they remain there and how are they cleared?
  • If nanoparticles enter cells, what effects do
    they have on cellular and tissue functions?
    Might there be different effects in different
    cells types?

21
Safety Concerns (Contd)
  • What are the differences in the ADME profile of
    nanoparticles versus larger particles?
  • What preclinical screening tests would be useful
    to identify potential risks (in vitro or in
    vivo)?
  • Can new technologies such as omics help
    identify potential toxicities and how can these
    methodologies complement current testing
    requirements?
  • Can nanoparticles gain access to the systemic
    circulation from dermal exposure? If
    nanoparticles enter skin cells, is there an
    effect on cellular functions? This would be
    relevant to drugs and cosmetics.

22
Characterization Concerns
  • What are the forms in which particles are
    presented to host, cells and organelles?
  • What are the critical physical and chemical
    properties, including residual solvents,
    processing variables, impurities and excipients?
  • What are the standard tools used for this
    characterization?
  • What are validated assays to detect and quantify
    nanoparticles in tissues, medical products, foods
    and processing equipment?
  • How do physical characteristics impact product
    quality and performance?
  • How do we determine long and short-term stability
    of nanomaterials?

23
Environmental Concerns
  • Can nanoparticles be released into the
    environment following human and animal use?
  • What methodologies would identify the nature, and
    quantify the extent, of nanoparticle release in
    the environment?
  • What might be the environmental impact on other
    species (animals, fish, plants, microorganisms)?

24
Current Preclinical Tests for Safety Evaluation
  • Pharmacology
  • Safety pharmacology
  • Toxicology (including clinical pathology and
    histopathologic analysis)
  • ADME
  • Genotoxicity
  • Developmental toxicity
  • Immunotoxicity
  • Carcinogenicity
  • Other

25
Adequacy of Current Preclinical System?
  • Existing battery of preclinical tests is
    currently believed to be adequate.
  • Why?
  • High dose multiples used
  • At least 2 animal species used
  • Extensive histopathology on most organs
  • Functional tests (cardiac, neurologic,
    respiratory, reproductive, immune system, etc/)
  • Extended treatment periods (up to 2 years for
    carcinogenicity studies)

26
FDA Research in Nanotechnology
  • Examples of research in
  • CDER
  • CBER
  • NCTR
  • CFSAN

27
Examples of CDER Research in Nanotechnolgy
  • Particle size determination in marketed
    sunscreens with TiO2 and ZnO nanoparticles.
  • Development of in vitro assays to assess toxicity
    of selected nanoparticles (collaboration with
    CDRH).
  • Manufacture of nanoformulations and
    characterization of physical and chemical
    properties.

28
Examples of CDER Research in Nanotechnolgy
(Contd)
  • Evaluation of excipient effects on nanotechnology
    products.
  • Evaluation of the effects of preparation
    methodology, process and formulation variables on
    nanotechnology product characteristics
    (including mathematical modeling of variables).
  • Evaluate the stability and pre-clinical
    bioavailability of certain selected
    nanotechnology products.

29
Examples of CBER Research in Nanotechnolgy
  • Development of Nanoparticle-Based Bio-Bar Code
    Amplification Multiplex Assays for Detection of
    Blood Born Viruses.
  • Development of Assays for Testing of Vascular and
    Blood Cell Compatibility of Nanomaterials.

30
Examples of CFSAN Research in Nanotechnogy in
Cosmetics
  • Collaboration with NCTR/NTP/Rice U.
  • Evaluating the effects of varying nano-size on
    the penetration of quantum dots through human and
    pig skin.
  • Evaluating the penetration of TiO2 and ZnO
    nanoparticles through human skin.
  • Evaluating the photocytotoxicity of TiO2
    nanoparticles using human skin fibroblasts.

31
Examples of NCTR Research in Nanotechnology
  • Evaluating the effect of size and coating on
    dermal penetration of quantum dots in skin of
    hairless mice (collaboration with NTP and Rice
    University)
  • Evaluating the toxicology of nanoscale TiO2 and
    ZnO market survey (size and coating) dermal
    penetration in vitro in mice and pigs PK and
    toxicogenomics in mice phototoxicity in vitro
    mice photocarcinogenicity in mice (collaboration
    with NTP, CFSAN and Rice University)

32
Two Frequently Asked Questions
  • Who (which Center) will review nanotechnology
    products?
  • What will be the requirements for nanotechnology
    products?

33
Who Will Review Nanotechnology Products?
  • Office of Combination Products will coordinate
    the regulatory framework for nanotechnology
    products.
  • An FDA Center will be designated with the primary
    responsibility for review.
  • However, consultations from other Centers will be
    sought.

34
What Are Testing Requirements for Nanotechnology
Products?
  • Currently there are no testing requirements that
    are specific to nanotechnology products.
  • FDAs current requirements for safety testing of
    products is very rigorous. However if research
    identifies toxicological risks that are unique to
    nanomaterials, additional testing requirements
    may become necessary.

35
Nanotechnology Product-Specific Guidance Document?
  • FDA is not anticipating any new guidance
    documents regarding nanomaterials in the near
    future.
  • The process of approval for nanomaterials will be
    the same as that used for other products making
    the same claims.

36
Challenges
  • New technology unknown risks
  • Limited scientific data available to address
    public health concerns.
  • Timely and accurate reporting of all relevant
    scientific findings.
  • Working in multidisciplinary teams.
  • Nomenclature
  • Pharmaceutical equivalence and bioequivalence
    (generic drugs).

37
Crucial Hurdles for Nanotechnology
  • Safety assessment
  • Adequacy of current toxicologic screens for
    nanoscale materials.
  • Potential for novel, unanticipated reactions.
  • Environmental consequences of medical use.
  • Medical utility
  • No experience with clinical testing.
  • Industrialization
  • Understanding the physical and chemical
    parameters that are crucial to product
    performance.
  • Developing test methods and specifications to
    control product/process.
  • Scale-up to mass production.
  • Lack of reference material, standards and
    manufacturing standardization.

38
Standard Test Method for Biological Response
Including Particles
  • Guidelines for evaluating biological safety for
    medical devices is based on application of
    voluntary standards
  • ASTM F 748 (F1903 in vitro and F1904 in vivo,
    for particles)
  • ISO 10993, Part 1
  • None of the standards are specific for
    nanoparticles.
  • Additional standard test methods may need to be
    developed for nanoparticles.
  • No existing standards for testing particles for
    drugs and biologics.

39
Opportunities
  • Early involvement of all parties crucial for
    conducting appropriate research and for
    identifying useful applications and potential
    risks.
  • Open communication between developers of
    nanotechnology products and regulators.
  • Education risk communication

40
FDA Nanotechnology Website
  • For links to individual Centers, published
    guidance documents and other relevant information
    on nanotechnology activities at FDA
  • www.FDA.GOV/NANOTECHNOLOGY
  • Sadriehn_at_CDER.FDA.GOV
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